SOUTHERN ILLINOIS UNIVERSITY EDWARDSVILLE RECORDS MANAGEMENT MANUAL Updated 03/2015 1
INTRODUCTION A Records Management program s chief function is the systematic control of the creation, maintenance, use and proper disposition of records, regardless of physical form or characteristics. A record series is the title of a group of related records which are used and filed as a unit and which will be evaluated as a unit for disposition purposes. Record or records as defined by the Illinois State Records Act (5 ILCS 160), means all books, papers, digitized electronic materials, maps, photographs, databases, or other official documentary materials, regardless of physical form or characteristics, made, produced, executed or received by any agency in the State in pursuance of state law or in connection with the transaction of public business and preserved or appropriate for preservation by that agency or its successor as evidence of the organization, function, policies, decisions, procedures, operations, or other activities of the State or the State Government, or because of the informational data contained therein. Library and museum material made or acquired and preserved solely for reference or exhibition purposes, extra copies of documents preserved only for convenience of reference, stocks of publications and of blank forms are not included within the definition of records as used in this Act. This manual is a guide for those implementing the University Records Management Program. It establishes directions, defines specific responsibilities, and outlines requirements for proper operation and maintenance of the program. In general, one person is designated to be the records coordinator within each University department. The records coordinator manages the department s records based on the University retention/disposition schedules and this manual. If you have a question about records, please contact your records coordinator who may contact the University Records Management Officer (X3982) or the University Archivist (X2665). Manual revisions will be made as circumstances dictate. This manual and the SIUE Records Management website (www.siue.edu/records) are designed to assist you in the management of your department s records. The website focuses on Records Management s staff, uses and benefits of its services and useful links such as the State and Local Government Records Management Programs and SIU Board Policies. The current University Records Management Officer is Gary Dunn. He is located in the Records Management Department in the Supporting Services Building. His phone number is 650-3982 and his email address is gdunn@siue.edu. The current University Archivist is Steve Kerber. He is located in the Louisa H. Bowen University Archives and Special Collections in the Lovejoy Library. His phone number is 650-2665 and his email address is skerber@siue.edu. 2
BENEFITS OF A RECORDS MANAGEMENT PROGRAM Records management has well-developed concepts and methods that address critical aspects of information management, such as: Determining how long recorded information must be kept Complying with record keeping laws and regulations Organizing recorded information for retrieval when needed Storing inactive records in an efficient and economical manner Protecting records that are essential to mission-critical business operations A systematic records management program adds value to business operations by reducing the cost of record keeping as follows: Ensuring compliance with legal and regulatory record keeping requirements, thereby avoiding costly fines or other penalties Reducing risks in civil litigation, government investigations, and the legal discovery process Reducing labor requirements for the creation, organization, retrieval, and dissemination of recorded information Minimizing storage requirements (space, equipment, and supplies) for a given quantity of records Reducing the time and effort required to reconstruct vital information in the event of disaster, theft, or other losses AUTHORIZATION The Illinois State Records Act (http://www.ilga.gov/legislation/ilcs/ilcs3.asp?actid=86&chapterid=2) declares government records are a form of property whose ownership lies with the citizens and with the State of Illinois and that those records are to be created, maintained and administered in support of the rights of those citizens and the operation of the State and that those records are, with very few exceptions, to be available for the use, benefit, and information of the citizens and that those records may not be disposed of without compliance to the regulations in this Act. The records of state colleges and universities are specifically named as being subject to the provisions of the State Records Act. Southern Illinois University Board of Trustees policy, (http://www.siu.edu/bot/index.htm, Financial and Administrative Affairs, Policy F) adopted June 12, 1980, requires Southern Illinois University Edwardsville to maintain a records management program which will provide for the 3
maintenance of records in an efficient and orderly manner and in compliance with all state and federal regulations. Accordingly, the University Records Management Officer is designated and authorized by the Chancellor to implement, maintain, and evaluate the University Records Management program. All organizational components of the University and all University employees are required to participate in the records management program, to recognize the authority and purpose behind the program, and to cooperate with the University Records Management Officer and the University Archivist in the successful implementation of the program. Departments may maintain records for longer than the minimum time spans recommended in the record retention/disposition schedules by obtaining authorization from the University records Management Officer. However, following consultation with the Administrative Services Director, the University Records Management Officer may require the retirement and transfer of inactive departmental records whenever the continuing retention of such inactive records in the department conflicts with efficient institutional records management policy. RESPONSIBILITY Paper format and other non-digital records remain the responsibility of and in the custody of the administrative head of the originating university department or office only so long as they are active records that are frequently accessed-normally defined as a period of five years or less. Inactive paper format and other non-digital inactive records will be transferred to the responsibility and custody of the University Records Management Officer or University Archivist. The records coordinator is responsible for the filing arrangement within the storage boxes to be transferred. Inactive University records should never be placed in closets or store rooms because such action interferes with institutional control of those records, prompts the purchase of unneeded storage cabinets, and wastes physical space. Active records series must be filed or digitally linked (see glossary) in such a manner as to facilitate the transfer of responsibility and custody. All University departments are expected to develop and maintain filing or digital linking systems that will assure prompt retrieval of active records. Inactive paper records should be transferred to the University Records Management Officer to be placed in the Records Center. Digital records remain the responsibility of and in the custody of the administrative head of the originating University department. Information Technology Services will not delete your records to comply with the State Records Act. The department records coordinator or other designee is responsible for digital records deletion. The Secretary of State released a memorandum on disposing of non-permanent paper records after scanning. It can be read at 4
the end of the manual. Storage questions should be directed to the University Records Management Officer at X3982 or University Archivist at X2665. It is important to keep in mind University records are not the property of and do not belong to the University employee who created or received them, or to the University department where they were created or received. University records are the property of and belong to the State of Illinois. Student/employee websites that are on ITS servers can be deleted. Any websites that have historical context should be saved. Historical context would be a website that is important to the university/state and/or something that would be saved for possible future research purposes. Ex: A professor or student developed website with research/documents/pictures/history of the Mississippi River Festival or the complete history of the SIUE Chancellors should be considered saving. Under University policy, faculty may retain private ownership of research and of teaching innovations under certain circumstances and the University records management policy does not apply in these circumstances. For clarification, please consult the University policies and procedures or the Office of the General Counsel at 650-2514. REFORMATTING OF UNIVERSITY RECORDS Reformatting (changing from one storage medium to another, such as paper to digital or disk to external hard drive) exhausts University resources in time and funds and can affect the records series lifespan and the ability to retrieve such records in an efficient manner. Computer hardware and software standards are critical in the reformation process. The University Records Management Officer will consult with the requesting department, Information Technology Services (ITS), Office of the General Counsel, and/or the University Auditors. Thus, reformatting of University records by departments is not encouraged and may not be planned without the permission from the University Records Management Officer. Long term inactive University records that require frequent formatting for appropriate storage should be reformatted as micro text (records migrated to microfilm) rather than to digital media. Reformatting questions should be directed to the University Records Management Officer at 650-3982. Electronic records are produced and kept in a wide variety of file formats, often dictated by the type of software used to create and access a record. Accessibility and user convenience are common factors that determine the use of one format over another. When managing electronic records that have retention requirements past their initial use, however, one must take into consideration the sustainability of the format used. 5
Sustainability in this context refers to continued accessibility over time. While no file format guarantee perpetual accessibility, certain formats have distinct advantages over others in this regard. These formats are referred to as sustainable formats. Sustainable formats can be found here: http://www.cyberdriveillinois.com/departments/archives/records_management/sustainableformats.html RECORDS DESTRUCTION/DISPOSITION University records, regardless of physical form or characteristics of the records, may only be destroyed or disposed with the authorization of the University Records Management Officer in compliance with the State Records Act, Board Policy, University Records Management Manual and the authorization to dispose State records by a signed disposal certificate by the Director of the Illinois State Archives. Original and duplicate records, listed in the SIUE Records Retention and Disposal Schedule may be disposed of providing the retention period is complete and no litigation is pending or anticipated. Records not listed in the SIUE Records Retention and Disposal Schedules should be reported to the University Records Management Officer at 650-3982 for inventory and evaluation. Record series disposition questions should be directed to the University Records Management Officer. Paper (hard copy) records containing sensitive information must be kept in a physically secured location such as a locked cabinet and/or office in accordance with its record retention schedule. Hard copies must be limited to the minimum number required or printed when there is a legitimate need.. When printing, photocopying or faxing, ensure that only authorized personnel will be able to see the output. Out must not be left unattended on a printer/fax. Sensitive information should be transmitted to network-connected printing/scanning devices unless on a closed or securely encrypted network. When sensitive information is not required on an ongoing basis, the information must be redacted with a black permanent marker or whiteout and photocopied. The copy retained while the original is securely shredded. Paper records not required on an ongoing basis, must be shredded with a crosscut shredder. RECORDS RETENTION AND DISPOSITION SCHEDULES This manual provides for the creation of records retention schedules for each University department which establish a timeline for the lifecycle of each category or series of records, based on the operating, administrative, fiscal, legal, and historical value of the information contained in each category. Field Specialists from the Illinois State Archives evaluate each 6
category of University records, determine the length of time that category of records will continue to retain informational value, and schedule or assign a lifespan (creation to disposal or archival) to each category of records. The University Records Management Officer uses the SIUE Records Retention and Disposition Schedules to decide when University records no longer retain informational value and may be disposed of in an appropriate manner. Defining the lifespan of records and scheduling the systematic destruction of valueless records will save the University in purchasing unneeded storage (cabinets, servers, buildings) while insuring that truly useful information remains accessible. Each University department should have access to its records retention and disposition schedule and this manual for reference in managing its records. If you do not have a records schedule for your department, contact the University Records Management Officer at X3982. ELECTRONIC MAIL (email) and TEXTING Electronic mail (email) and texting are forms of digital records and becoming increasingly important as a means of conducting University business. The same record retention requirements for paper apply to digital records. Each individual user is responsible for maintenance of its digital records. The Office of Information Technology Services (ITS) does not centrally store and maintain digital records. Therefore, each user needs to file or link their digital record so they are in compliance with the State Records Act and for retrieval if necessary. While this task may seem overwhelming, it is important that all University users treat digital records the same as paper records. The State Records Act was specifically amended to include digital information. You may contact ITS at 650-5500 for assistance in setting up and maintaining your email. Only digital messages which constitute a transaction of University business must be stored and managed. This includes, for example, email messages dealing with specific terms of a contract as the contract is being negotiated, employment acceptance or resignation messages, and messages of historical significance. Email, which if it were a paper record, need not be saved and maintained, should be deleted from files as soon as the message has fulfilled its purpose. Digital records and attachments which are records, must be retained and managed for the length of its retention period. Digital technology is provided to University employees for conducting University business and is not considered private and confidential. Digital records may be made public pursuant to state law or litigation. For example, digital records are subject to pre-trial discovery in a court of law, state and federal open records laws, and the Illinois freedom of Information Act. In its present 7
form, digital records are not always secure and is vulnerable to unauthorized access and modification by computer hackers. ITS has a Responsible Use Policy which explains the use of computer networks, desktop and laptop computers, and other related devices made available to employees. You may access this policy at http:/www.siue.edu/policies/2d4.shtml. Employees who are leaving the University must transfer their records (paper and digital) excluding private and personal, to the department s records coordinator, in order to: Maintain continuity in business operations Assist the employee s successor in performing the duties required by the University Ensure that retention and disposal requirements will be accomplished CONFIDENTIALITY Some University records are confidential in nature by law and policy. Confidential records include statements, papers, or information written, now held or hereafter received regarding the following: Student academic records Student and employee health or medical records Employee personnel, evaluation, and discipline records Applicant records Grievance records (faculty, staff, students) Financial aid to individual students Accounts receivable (faculty, staff, students) Police records on individuals Counseling disability records Social Security Numbers Trade secrets or intellectual property such as research activities Birth Date Passwords Credit card numbers Citizen visa code Confidential records are not exempt from the University Records Management Program. Inactive confidential records in non-digital formats approved for destruction by the University Records Management Officer must be physically destroyed (shredded) in a manner that makes 8
reconstruction of the records impossible. Inactive confidential records in digital formats approved for destruction by the University Records Management Officer must be disposed of (deleted) in a manner that makes the reconstruction of these records impossible. Confidential records, or any part of such records, are not to be disclosed or provided in any manner to any person, organization, agency, or other party without proper authorization. Proper authorization to disclose such records may be made by direction of the Chancellor or the functional area head responsible for the records. They also may be accessed by qualified University personnel whose assigned duties require use of them. These guidelines are subject to applicable state and federal statutes and regulations which take precedence over the provisions of the guidelines in any case in which policy is inconsistent with them. Confidential paper records need to be in a secure place when they are not being accessed. A confidential records breach is to be reported immediately to your supervisor. A confidential records breach regarding University or third party data or information may result in disciplinary action including termination of employment and possible civil or criminal prosecution or penalties. The Personal Information Protection Act (PIPA) specifically requires public universities, such as Southern Illinois University Edwardsville (SIUE), and other data collectors to notify affected individuals whenever a breach of the security of the data collector's system data occurs. PIPA is the enactment of House Bill 1633, which was signed into law in June, 2005, and went into effect on January 1, 2006. With PIPA, Illinois became only the second state in the country to respond to major security breach cases (e.g., ChoicePoint). The PIPA creates several stipulations for notifying affected persons of a data breach. More information about security breaches can be found here: http://www.siue.edu/policies/2d1.shtml UNIVERSITY ARCHIVES The Louisa H. Bowen University Archives and Special Collections, a unit of Library and Information Services, serves as the repository for all University records and memorabilia of enduring or historical value and for the donated personal papers and manuscripts of faculty members. Most University records do not have enduring or historical value and therefore not kept by University Archives. However, the determination of which documents have historical or enduring value must be made by the University Archivist. The University Archivist serves as an advisor and resource person to the University Records Management Officer with respect to University records of historical or enduring value. It is unnecessary for departments to maintain 9
substantial collections of University records and memorabilia in competition with or in duplication of the function served by the University Archives. RECORD COORDINATOR S CHECKLIST Record coordinators should have access to the following resources to assist in their record management responsibilities and follow the instructions set forth therein: SIUE Records Management Manual Phone numbers or email addresses for the University Records Management Officer, University Archivist, and Office of the General Counsel for questions, comments, or concerns. Records Management website (www.siue.edu/records) CAPSULE SUMMARY OF RECORDS POLICIES 1. Records management is a field of management responsible for the systematic control of the creation, maintenance, use, and proper disposition of records, regardless of physical form or characteristics. 2. No University records may be destroyed or otherwise disposed of without the authorization of the University Records Management Officer. Records approved for destruction that contain confidential or sensitive information must be destroyed (shredded or deleted) in a manner that makes reconstruction of the records impossible. 3. Inactive paper records (those referred to an average of once per academic term or less) are to be transferred to the University Records Management Officer. University records are not to be stored in basements, attics, stairwells, furnace rooms, supply closets, etc. 4. Records evaluated by the University Archivist to have historical value are to be transferred to the University Archives at the end of their reference value to the unit. 5. All University departments are expected to develop and maintain filing systems that will assure prompt retrieval of records and which will permit the department to transfer or dispose of records in an orderly fashion. 6. Departments are to consult the University Records Management Officer on all proposed microfilming or scanning projects and to utilize the serives of the Records Management Department unless otherwise approved by the University Records Management Officer. 10
GLOSSARY Administrative record value records no longer needed for current operations, but they still may be valuable for administrative reasons. Records may be used to summarize operations or as a basis for a speech or written report. Administrative value is often difficult to judge, since management includes a wide variety of individuals with differing needs. In general, administrative values are in the range of one to two years. Archival record value- a record valued as historical or enduring which is permanently preserved. Digital records also referred to as electronic records such as emails, databases, spreadsheets, texts, and word documents. Digital linking system an electronic filing system such as indexing a digitized record into a database in the University-wide document imaging system (ImageNow Document Imaging System). Family Educational Rights & Privacy Act (FERPA) a federal law that protects the privacy of student education records. Fiscal record value need to preserve records for a certain period of time as an audit trail to document financial transactions. Health Insurance Portability & Accountability Act (HIPAA) protects all individually identifiable health information held or transmitted by a covered entity or its business associate, in any form or media, whether electronic, paper, or oral. Individually identifiable health information is information, including demographic data, that relates to the 1) individual s past, present or future physical or mental health or condition, 2) the provision of health care to the individual, 3) the past, present, or future payment for the provision of health care to the individual. Intellectual preservation ensuring the integrity and authenticity of the information as originally recorded. Legal record value refers to both external obligations to obey legal requirements for maintaining records and also internal need to document the legal rights of the University. Medium preservation preserving the physical media on which the electronic records reside. 11
Non-record material means: a) Material not filed as evidence of administrative activity or for the informational content thereof. b) Extra copies of documents preserved only for convenience of reference. c) Stocks of printed or reproduced documents kept for supply purposes, where file copies have been retained for record purposes. d) Books, periodicals, newspapers, posters, and other library and museum materials made or acquired and preserved solely for reference or exhibition purposes. e) Private materials neither made nor received by a state agency pursuant to state law or in connection with the transaction of public business such as telephone call slips, routing slips, transmittal letters, preliminary letter drafts, memoranda, work sheets, and informal notes which do not represent significant steps in the preparation of the record document. f) Perforated, magnetized and photography coded cards and tapes, provided that documents containing the same information have been filed in the same office and such cards and tapes were not prepared as evidence of administrative decisions or transactions subject to audit. Whenever doubt arises whether certain records are non-records materials, it should be presumed that they are records. Non-record materials may be destroyed at any time by the agency in possession of such materials without the approval of the University Records Management Officer. Office of record office that generates records and has sole responsibility to maintain those records. Operating or operational record value refers to the value of the record for the current work of the University and is very short-term, such as the necessity to document the receipt and payment of a vendor s invoice. Personally identifiable information (PII) - as used in United States Privacy Law and information security, is information that can be used on its own or with other information to identify, contact, or locate a single person, or to identify an individual in context. The abbreviation PII is widely accepted in the U.S. context, but the phrase it abbreviates has four common variants based on personal/personally, and identifiable/identifying. 12
Record disposition/destruction disposing or destroying records when the individual retention period is complete, all audits have been completed and no litigation is pending or anticipated, and disposition is approved by the University Records Management Officer. Record, file, or document lifespan/lifecycle the creation or receipt of a record or document through its destruction or permanent preservation. Records are subject to changing requirements for timely retrieval, convenient distribution, and reliable, cost-effective storage. Record retention how long a record is kept based on legal requirements, best practices, and its value such as fiscal, archival, legal, operating, or administrative. Record series is the title of a group of related records which are used and filed as a unit and which will be evaluated as a u nit for disposition purposes. Records coordinator departmental records representative who works with the University Records Management Officer whose responsibilities include: Notify the University Records Management Officer of changes to records generated by the department. Review department records annually to purge duplicate records with no administrative value. Consult with the University Records Management Officer for the transfer of records to Records Management Department. Prepare documents and schedule records series to be processed and/or disposition by Records Management Department. Consult with the University Records Management Officer on the creation and/or retirement of records series. Reformatting records changing a record from one type of media (paper, electronic, tape) to another type of media. For example, scanning paper documents into an electronic storage device (server, hard drive, CD). State Records Commission a committee which consists of representatives from the Secretary of State s, Attorney General s, Treasurer s, Comptroller s and other statewide offices who approve the University s records retention and disposition schedule. State records retention and disposition schedule a list of University records to be maintained and later destroyed or archived which is prepared by the University and approved by the State Records Commission. See State Records Commission. Technology preservation updating technologies from old to new as they become available. 13
University department refers to any organizational component of the University. University record recorded information, regardless of physical form or characteristics, maintained by the University in pursuance of legal obligations or in the transaction of business. Records are significant informational assets generated by the University. Vital record record series essential for the continuous operation of the University. 14
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